C-2 Longevity Risk Work Group Submits a Comment Letter to NAIC on Reserve Implications of Proposed VM-22 Principle-Based Reserving Framework
The C-2 Longevity Risk Work Group submitted comments to the National Association of Insurance Commissioners’ Longevity Risk (A/E) Subgroup on reserve implications of expanding the scope of C-2 Longevity Risk-Based Capital requirements to include longevity reinsurance contracts in the proposed Principle-Based Reserving framework.
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